Orth v. Commissioner
Opinion of the Court
This proceeding is for the redetermination of a deficiency in income tax for the year 1924 in the amount of $158.24.
The only error assigned is that the Commissioner refused to allow as a deduction from gross income of the year 1924, $5,000 which
BINDINGS OP PACT.
The petitioner is an individual who resides in East Chicago, Ind.
In 1912, the petitioner and George L. Danforth entered into a contract agreement by which petitioner authorized the said Danforth to act for him and in his behalf in the sale of a certain patent or rights under such patent. Sometime subsequent to 1912, the controversy arose between the petitioner and Danforth, in regard to a claim, or claims by Danforth for commissions due him for services rendered.
In 1920, Danforth filed suit against the petitioner on said claims. In 1924, a compromise agreement was made between them to the effect that petitioner should pay to Danforth $10,000 in full settlement of all claims against the petitioner.- In pursuance of that agreement, petitioner paid to Danforth, on December 15,1924, $5,000 in cash.
Petitioner keeps his books and makes his returns on a cash receipts and disbursement basis and on his return for 1924, deducted that $5,000 payment from his gross income. The Commissioner disallowed the deduction and determined a deficiency.
Payment of the $5,000 was an ordinary and necessary expense, deductible in the year paid— 192J¡.. Judgment of no deficiency will be entered.
Case-law data current through December 31, 2025. Source: CourtListener bulk data.